Lion News
01/29/2013
Any person who produces hazardous waste or causes hazardous waste to become subject to regulation is a generator of hazardous waste. Waste can be produced by industrial processes or through recycling and waste treatment. Wastes can become subject to regulation without actually being produced through the closure of a process or facility or the cleanup...
01/15/2013
01/08/2013
EHS managers nationwide have just three more weeks to complete and post their organizations’ annual OSHA 300-A Summary Forms. Formally known as the Summary of Work-Related Injuries and Illnesses, this form must be completed no later than February 1 and posted in...
07/12/2012
06/19/2012
On June 11, 2012 Mr. Jim Jones, EPA Acting Assistant Administrator for the Office of Chemical Safety and Pollution Prevention signed a rule to extend the Chemical Data Rule (CDR) reporting period by six weeks. The submission deadline for the report is moved to...
06/12/2012
On May 30th, 2012, EPA published a Significant New Use Rule (SNUR) for elemental mercury used in barometers, manometers, hygrometers, and pyrometers. Under the terms of the Toxic Substances Control Act (TSCA), this means that beginning June 29, 2012, any “new use” of elemental mercury in certain articles must be reported to the EPA before...
06/05/2012
05/08/2012
It’s that time again. July 1st is the deadline for submission of the Toxic Release Inventory. Here’s a reminder of the Who, What, and When of TRI....
03/13/2012
Q. Under the Safe Drinking Water Act, the Environmental Protection Agency establishes quality standards for public water supply systems. The EPA sets two kinds of standards: “Primary” and “Secondary.” What’s the difference...
02/14/2012
Yes, it’s that time again! The annual hazardous chemical inventory report required under the EPCRA rules at 40 CFR 370 is due on March 1, 2012. The inventory reporting rule applies to any facility that is required to prepare or have available a material safety data sheet (MSDS) for a hazardous chemical under...
Some of the limited quantity reliefs are identical across the intermodal transport rules, but others are reserved for specific modes of transport. Shippers can and should capitalize on these limited quantity reliefs when possible, but must recognize that some hazmat requirements still apply to shipping limited quantities.
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